Financial Conflict of Interest (FCOI) Policy

Effective date: August 28, 2026

Introduction

The purpose of this policy is to document the requirements and responsibilities associated with identifying and managing financial conflicts of interest to safeguard the integrity of Rip Road, Inc. (“Rip Road”) research and to comply with federal regulations.

Financial conflicts of interest in research involve situations in which an investigator has a significant financial interest that may compromise, or have the appearance of compromising, professional judgment in the design, conduct, or reporting of research. Rip Road developed the following FCOI policy in compliance with HHS regulation 42 CFR Part 50 Subpart F to ensure that the design, conduct, and reporting of research associated with the PHS/NIH-supported projects is free from bias resulting from an investigator’s conflicting financial interest.

Definitions

The following definitions are provided as a reference and are considered key definitions in understanding the federal regulations of FCOI. A complete list of official definitions can be found at 42 CFR 50.603.

Investigators include the Principal Investigator/Project Director and any other individuals, regardless of title or position who is responsible for the design, conduct, or reporting of PHS/NIH-funded research, or proposed for such funding, and which may include for example, collaborators or consultants.

Institutional responsibilities mean an Investigator's professional responsibilities on behalf of the Institution, and as defined by the Institution, including but not limited to, activities such as research, research consultation, teaching, professional practice, institutional committee memberships, and service on panels such as Institutional Review Boards or Data and Safety Monitoring Boards.

Financial interest means anything of monetary value, whether the value is readily ascertainable.

Manage means taking action to address a financial conflict of interest, which can include reducing or eliminating the financial conflict of interest, to ensure, to the extent possible, that the design, conduct, and reporting of research will be free from bias.

Financial Conflicts of Interest in research involve situations in which an investigator has a significant financial interest that may compromise, or have the appearance of compromising, professional judgment in the design, conduct, or reporting of research.

FCOI Training

In compliance with federal regulations, all Rip Road Investigators who are planning to participate in or are participating in Public Health Service (PHS) funded research are required to review the Rip Road FCOI policy and complete the FCOI Training module:

Upon completion of the training, a certificate of completion must be sent to the Research and Grants Manager. Investigators should also retain a copy for their records.

Significant Financial Interest

Note: The above disclosure requirement does not apply to travel that is reimbursed or sponsored by a Federal, state, or local government agency in the United States, or a United States public or non-profit institution of higher education (as defined at 20 U.S.C. 1001(a)) or its affiliated hospital, medical center or research institute.

The term significant financial interest does not include the following types of financial interests:

Identification of Persons Required to Disclose an SFI

The Principal Investigator of a Research Project will identify all Investigators who have to complete a significant financial conflict disclosure. The Principal Investigator and Research and Grant Manager will be responsible for ensuring that annual updates and disclosures of new or increased financial interests are completed.

Submission of Significant Financial Interest Disclosure Form

Each Investigator identified by the PI will be required to complete SFI Disclosure Form:

Review of Financial Interest Disclosure Form

A review of the SFI Disclosure Form will be conducted by the PI with input from the Investigator to determine whether a potential for conflict of interest exists. The requirement that an Investigator discloses a Significant Financial Interest under the terms of this Policy does not in and of itself imply the existence of an actual or potential Financial Conflict of Interest.

A Financial Conflict of Interest exists when Investigator’s Significant Financial Interest is:

If it is determined that there is a potential conflict of interest, then steps will be taken to determine what measures are needed to manage, reduce or eliminate specific SFI to prevent the potential to compromise or bias professional judgment or objectivity regarding the design, conduct or reporting of research.

A management plan may be required to outline the terms, conditions, and restrictions, if any, to ensure compliance with this policy. The management plan may require one or more of the following actions (but not limited to) to be taken:

Reporting Requirements

The Principal Investigator is responsible for the reporting disposition of matters involving disclosures of SFI in accordance with applicable federal requirements. The following reports are required by the sponsor:

Whenever an Institution identifies a significant financial interest that was not disclosed timely to the sponsor, Rip Road will:

Further, Rip Road will notify the sponsor promptly:

Management Plan

The management plan is to be implemented prior to the company’s expenditure of PHS funds awarded for the research project. The management plan will specify the actions that are required to manage the Financial Conflict of Interest, and will include a description of the key elements outlined below:

Investigators must formally agree to the proposed management strategies. All management plans are required to be signed by the Investigator and the Principal Investigator. Compliance of the management plan will be monitored by the Principal Investigator. Additional Management plan requirements are outlined below.

Violations of FCOI Policy

Investigators are expected to comply fully and promptly with this policy. Whenever a person has violated this policy, including failure to make a required disclosure of financial interests or failure to comply with a requirement of the management plan, disciplinary proceedings may be taken against the violating individual.

Rip Road will follow Federal regulations regarding the notification of the sponsoring agency in the event an Investigator has failed to comply with this policy as described above. The federal agency may take its own action as it deems appropriate, including the suspension of the funding for the Investigator until the matter is resolved.

Additionally, in any case in which the sponsor determines that a PHS-funded project of clinical research whose purpose is to evaluate the safety or effectiveness of a drug, medical device, or treatment has been designed, conducted, or reported by an Investigator with a financial conflict of interest that was not managed or reported by the Institution as required by this subpart, the Institution will require the Investigator involved to disclose the financial conflict of interest in each public presentation of the results of the research and to request an addendum to previously published presentations.

Maintenance of Records

Records of Investigator SFI Disclosure forms, and of actions taken to manage actual or potential conflicts of interest, shall be retained by the Executive team for three (3) years from the date the final expenditure report is submitted to the sponsor or, where applicable, from other dates specified in 45 CFR 75.361 for different situations.

Subrecipient Requirements

When carrying out the PHS-funded research through a subrecipient (e.g., subcontractors or consortium members), Rip Road will establish a written agreement (e.g., subaward contract) which confirms that the investigators of the subrecipient institution will comply with this policy or provide certification that their organization is in compliance with the Federal policy, 2011 Revised Financial Conflict of Interest Regulation, Promoting Objectivity in Research (42 CFR part 50 subpart F).

If an SFI is identified by the sub-award recipient, they are required to notify the PI of the existence of the conflicting interest within 30 days of the identification of the interest. In addition, the sub-award recipient must certify and assure that any reported conflicting interest has been managed, reduced, or eliminated in accordance with federal regulations.

Public Disclosure and Records Management

Rip Road will publish the institution’s policy on its public website. Rip Road will also maintain public accessibility to Significant Financial Interests of senior/key personnel (as defined by the regulation) that were identified as FCOIs and reported to the sponsor. As such, Rip Road will respond to all written requests for information within five business days and then release the following information about such Significant Financial Interest.

Records of Investigator SFI Disclosure forms, and of actions taken to manage actual or potential conflicts of interest, will be retained for a minimum of three years from the date the final expenditure report is submitted to the sponsor as required by 42 CFR 50.605(a)(5)(i)-(iv). Upon the NIH request, Rip Road, Inc. will also make information available relating to any investigator.

Rip Road will make the SFI disclosure and the institutional review available, whether or not the disclosure resulted in the institution’s determination of an FCOI.

FCOI in Research Involving Human Subjects

Additional consideration will be given to conflicts of interest when the research involves human participants. In addition to the process outlined above, any significant financial conflict identified will be disclosed to the Institutional Review Board (IRB) responsible for review and approval of the associated protocols. Research will not begin/resume until the IRB has confirmed that appropriate steps have been taken to ameliorate any potential harm or potential harm to participants due to the significant financial conflict.

Contact

Questions about this policy, or written requests for information Rip Road makes available under it, may be directed to Rip Road’s Research and Grants Manager:

Rip Road, Inc.
Attn: Research and Grants Manager
80 Broad St, Suite 2000
New York, NY 10004
questions@riproad.com